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THOUGHT LEADERSHIP/ALERTS

Does Treasury Have Discretion to Deny a 1603 Grant Application?

March 1, 2011
Novogradac Journal of Tax Credits
Author(s): Forrest Milder

This month we have another brand new case of importance to the renewable energy industry. The decision is ARRA Energy Company I, et al. v. United States, and it involves the Treasury’s processing of Section 1603 grant applications.
Originally published in the Novogradac Journal of Tax Credits. Reproduced by permission.

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This month we have another brand new case of importance to the renewable energy industry. The decision is ARRA Energy Company I, et al. v. United States, and it involves the Treasury’s processing of Section 1603 grant applications.
Originally published in the Novogradac Journal of Tax Credits. Reproduced by permission.


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